The Goldman Sachs Group, Inc.

LIQUIDITY COVERAGE RATIO DISCLOSURE

For the quarter ended June 30, 2020

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

TABLE OF CONTENTS

Page No.

Introduction

1

Liquidity Coverage Ratio

2

High-Quality Liquid Assets

2

Net Cash Outflows

3

Unsecured and Secured Financing

4

Derivatives

5

Unfunded Commitments

6

Cautionary Note on Forward-Looking Statements

8

INDEX OF TABLES

Page No.

Table 1

Liquidity Coverage Ratio

2

Table 2

High-Quality Liquid Assets

3

Table 3

Net Cash Outflows

3

Table 4

Unsecured Net Cash Outflows

4

Table 5

Secured Net Cash Outflows

5

Table 6

Derivative Net Cash Outflows

6

Table 7

Unfunded Commitments Net Cash Outflows

6

Table 8

Liquidity Coverage Ratio Summary

7

June 2020 | LCR Disclosure

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Introduction

Overview

The Goldman Sachs Group, Inc. (Group Inc.), a Delaware corporation, together with its consolidated subsidiaries (collectively, the firm), is a leading global investment banking, securities and investment management firm that provides a wide range of financial services to a substantial and diversified client base that includes corporations, financial institutions, governments and individuals. When we use the terms "the firm," "we," "us" and "our," we mean Group Inc. and its consolidated subsidiaries.

The Board of Governors of the Federal Reserve System (FRB) is the primary regulator of Group Inc., a bank holding company (BHC) under the U.S. Bank Holding Company Act of 1956 and a financial holding company under amendments to this Act. As a BHC, we are subject to a minimum Liquidity Coverage Ratio (LCR) under the LCR Rule approved by the U.S. federal bank regulatory agencies. The LCR Rule sets forth minimum liquidity standards designed to ensure that banking organizations maintain adequate liquidity under a period of market stress. The FRB requires BHCs subject to the LCR Rule to make public LCR disclosures (LCR Public Disclosure Rule).

This document is designed to satisfy the LCR Public Disclosure Rule and should be read in conjunction with our most recent Quarterly Report on Form 10-Q. References to our Quarterly Report on Form 10-Q are for the quarter ended June 30, 2020 (June 2020).

Liquidity Risk Management

Liquidity risk is the risk that we will be unable to fund ourselves or meet our liquidity needs in the event of firm- specific, broader industry or market liquidity stress events. We have in place a comprehensive and conservative set of liquidity and funding policies. Our principal objective is to be able to fund ourselves and to enable our core businesses to continue to serve clients and generate revenues, even under adverse circumstances.

Treasury, which reports to our chief financial officer, has primary responsibility for developing, managing and executing our liquidity and funding strategy within our risk appetite.

Liquidity Risk, which is independent of our revenue- producing units and Treasury, and reports to our chief risk officer, has primary responsibility for assessing, monitoring and managing our liquidity risk through firmwide oversight across our global businesses and the establishment of stress testing and limits frameworks.

For information about our internal Liquidity Risk Management framework, see "Risk Management - Liquidity Risk Management" in Part I, Item 2 "Management's Discussion and Analysis of Financial Condition and Results of Operations" in our Quarterly Report on Form 10-Q.

Compliance with Liquidity Requirements

At the consolidated level, the firm is subject to both the LCR Rule and the LCR Public Disclosure Rule.

The LCR Rule requires that a firm subject to the LCR Rule maintain an amount of high-quality liquid assets (HQLA) that is no less than 100% of the firm's total net cash outflows (NCOs) over a prospective 30 calendar-day period. The LCR Rule preamble states that a firm's HQLA is expected to be available for use to address liquidity needs in a time of stress, which could result in a firm's LCR dropping below the requirement of 100%. The LCR Rule sets forth a supervisory framework for addressing LCR shortfalls that is intended to enable supervisors to monitor and respond appropriately to the unique circumstances that give rise to a firm's LCR shortfall.

The LCR Public Disclosure Rule requires BHCs to disclose, on a quarterly basis, the average daily LCR over the quarter, as well as quantitative and qualitative information about certain components of a firm's LCR.

The information presented in this document is calculated in accordance with the LCR Rule and presented in accordance with the LCR Public Disclosure Rule, unless otherwise specified. The information is based on our current interpretation and understanding of the LCR Rule and the LCR Public Disclosure Rule and may evolve as we discuss the interpretation and application of these rules with our regulators. Table 8 (lines 1 through 33) presents the firm's LCR in the format provided in the LCR Public Disclosure Rule. Tables 1 through 7 present a supplemental breakdown of the firm's LCR components.

June 2020 | LCR Disclosure 1

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

In addition to the liquidity requirements applicable at the consolidated level, certain of our subsidiaries are subject to liquidity requirements. For information about our subsidiaries' liquidity requirements, see "Risk Management

  • Liquidity Risk Management" in Part I, Item 2 "Management's Discussion and Analysis of Financial Condition and Results of Operations" in our Quarterly Report on Form 10-Q.

Liquidity Coverage Ratio

The LCR Rule requires a firm to maintain an amount of HQLA sufficient to meet stressed cash outflows over a prospective 30 calendar-day period.

The table below presents information about our average daily LCR.

Table 1: Liquidity Coverage Ratio

Three Months Ended June 2020

$ in millions

Average Weighted

Total high-quality liquid assets

$283,483

Eligible high-quality liquid assets

211,255

Net cash outflows

146,814

Liquidity coverage ratio

144%

In the table above, the weighted Total HQLA and Eligible HQLA balances reflect the application of haircuts prescribed in the LCR Rule as described below. The LCR is calculated as the ratio of weighted Eligible HQLA to weighted NCOs. The firm's NCOs largely consist of prospective outflows related to the firm's unsecured funding, derivative positions and unfunded commitments.

The firm's average LCR for the three months ended June 2020 was 144%, as compared with the firm's average LCR for the three months ended March 2020 of 131%. The firm's average weighted Eligible HQLA and NCOs increased compared to the prior reporting period. We expect that fluctuations in client activity, business mix and the market environment will impact our LCR.

See "High-Quality Liquid Assets" and "Net Cash Outflows" for further information about the firm's LCR.

High-Quality Liquid Assets

Total HQLA represents unencumbered, high-quality liquid assets held by the firm across entities. The LCR Rule defines HQLA in three asset categories: Level 1, Level 2A and Level 2B, and applies haircuts and limits to certain asset categories.

Level 1 assets are considered the most liquid under the LCR Rule and are eligible for inclusion in a firm's HQLA amount without a haircut or limit. Level 2A and 2B assets are considered less liquid than Level 1 assets and are subject to additional adjustments in the LCR Rule. Specifically, Level 2A assets are subject to a haircut of 15% of their fair value, while Level 2B assets are subject to a haircut of 50% of their fair value. In addition, the sum of Level 2A and 2B assets cannot comprise more than 40% of a firm's HQLA amount, and Level 2B assets cannot comprise more than 15% of a firm's HQLA amount.

Eligible HQLA is the amount of Total HQLA that meets operational requirements and generally applicable criteria, including considerations for the transferability of excess liquidity held at subsidiaries, as set forth in the LCR Rule. The operational requirements for Eligible HQLA include, but are not limited to, the following:

  • Eligible HQLA must be under the control of the liquidity management function.
  • A firm must have the operational capability to monetize the assets that qualify as Eligible HQLA.

The generally applicable criteria for Eligible HQLA include, but are not limited to, the requirement that the assets be unencumbered and that a firm take into account the following restrictions related to the transferability of HQLA across entities:

  • If a subsidiary is subject to a minimum liquidity standard under the LCR Rule, then its HQLA can be included in a firm's Eligible HQLA up to the amount of the subsidiary's NCOs included in the subsidiary's LCR calculation.
  • If a subsidiary is not subject to a minimum liquidity standard under the LCR Rule, then its HQLA can be included in a firm's Eligible HQLA up to the amount of the subsidiary's NCOs included in a firm's consolidated LCR calculation.
  • A firm can also include in its Eligible HQLA any additional amount of HQLA held by a subsidiary that would be available for transfer without statutory, regulatory, contractual or supervisory restrictions to a firm's top-tier parent entity during times of stress.

June 2020 | LCR Disclosure 2

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

The table below presents a summary of the components of HQLA held by the firm, calculated in accordance with the LCR Rule.

Table 2: High-Quality Liquid Assets

Three Months

Ended June 2020

Average

Average

$ in millions

Unweighted

Weighted

Total high-quality liquid assets

$286,134

$283,483

Eligible high-quality liquid assets

$211,459

$211,255

Level 1

210,429

210,429

Level 2A

889

756

Level 2B

141

70

In the table above, weighted balances reflect the application of haircuts to HQLA, as prescribed by the LCR Rule.

Both the firm's Total HQLA and Eligible HQLA substantially consist of Level 1 assets and are diversified across the firm's major operating currencies. The firm's Total HQLA is also substantially similar in composition to our global core liquid assets (GCLA).

For information about our GCLA, see "Risk Management - Liquidity Risk Management" in Part I, Item 2 "Management's Discussion and Analysis of Financial Condition and Results of Operations" in our Quarterly Report on Form 10-Q.

Net Cash Outflows

Overview

The LCR Rule defines NCOs as the net of cash outflows and inflows during a prospective stress period of 30 calendar days. NCOs are calculated by applying prescribed outflow and inflow rates to certain assets, liabilities and off-balance- sheet arrangements. These outflow and inflow rates reflect a specific standardized stress scenario to a firm's funding sources, contractual obligations and assets over the prospective stress period, as prescribed by the LCR Rule. Due to the inherently uncertain and variable nature of stress events, the firm's actual cash outflows and inflows in a realized liquidity stress event may differ, possibly materially, from those reflected in the firm's NCOs.

To capture outflows and inflows that would occur within a 30 calendar-day period, the LCR Rule requires that a firm's NCOs calculation reflects outflows and inflows based on the contractual maturity of certain assets, liabilities and off- balance-sheet arrangements. To determine the maturity date of outflows, the LCR Rule accounts for any option that could accelerate the maturity date of an instrument or the date of a transaction and does not recognize notice periods. Where contractual maturity is not applicable, the LCR Rule also sets forth stressed outflow assumptions. In addition, the LCR Rule requires a firm to recognize contractual outflows within a 30 calendar-day period that are not otherwise described in the LCR Rule and does not recognize inflows not specified in the LCR Rule. The inflows included in the NCOs calculation are subject to a cap of 75% of a firm's calculated outflows.

The LCR Rule also considers mismatches in maturities that could impact a firm's liquidity position during a 30 calendar- day period. Specifically, a firm is required to calculate and compare the net cumulative outflow amount on the final day of the period to the largest single-day difference between certain cumulative outflows and inflows during the period. The difference between the net outflows on the last day and largest, or "peak," day is the maturity mismatch add-on, which is included in the firm's NCOs calculation.

The table below presents a summary of the firm's NCOs, calculated in accordance with the LCR Rule.

Table 3: Net Cash Outflows

Three Months Ended June 2020

$ in millions

Average Weighted

Total net cash outflows excluding maturity mismatch add-on

$145,343

Maturity mismatch add-on

1,471

Total net cash outflows

$146,814

Further details about each of the material components of the firm's NCOs, including a description of the applicable sections of the LCR Rule, are described below.

In the tables referenced in the remainder of this section, unweighted balances reflect certain of the firm's assets, liabilities and off-balance-sheet arrangements captured in the LCR Rule. Weighted balances reflect the application of prescribed outflow and inflow rates to these unweighted balances.

June 2020 | LCR Disclosure 3

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Unsecured and Secured Financing

Overview

Our primary sources of funding are deposits, collateralized financings, unsecured short- and long-term borrowings, and shareholders' equity. We seek to maintain broad and diversified funding sources globally across products, programs, markets, currencies and creditors to avoid funding concentrations.

Our funding is primarily raised in U.S. dollar, Euro, British pound and Japanese yen. We generally distribute our funding products through our own sales force and third-party distributors to a large, diverse creditor base in a variety of markets in the Americas, Europe and Asia. We believe that our relationships with our creditors are critical to our liquidity. Our creditors include banks, governments, securities lenders, corporations, pension funds, insurance companies, mutual funds and individuals.

For information about our funding sources, see "Balance Sheet and Funding Sources" in Part I, Item 2 "Management's Discussion and Analysis of Financial Condition and Results of Operations" in our Quarterly Report on Form 10-Q.

Unsecured Net Cash Outflows

The firm's unsecured funding consists of a number of different products, including:

  • Savings, demand and time deposits, from consumers and institutional clients, and through internal and third-partybroker-dealers, as well as transaction banking channels;
  • Unsecured short-term borrowings, including U.S. and non- U.S. hybrid financial instruments; and
  • Unsecured long-term borrowings, including structured notes, raised through syndicated U.S. registered offerings, U.S. registered and Rule 144A medium-term note programs, offshore medium-term note offerings and other debt offerings.

The LCR Rule requires that the NCOs calculation reflects a firm's upcoming maturities of unsecured long-term debt and other unsecured funding products during a 30 calendar-day period, assuming no roll over of debt that matures. In addition, the LCR Rule assumes that in a liquidity stress scenario, a firm is unable to issue new unsecured funding.

In a firm's capacity as a market maker for debt securities that the firm has issued, the LCR Rule prescribes outflow rates between 3-5% for instances where the firm may provide market liquidity through the purchase of debt securities from investors. "Other contingent funding obligations outflow" (see Table 4) includes these outflows.

The LCR Rule also prescribes outflows related to a partial loss of retail deposits, brokered deposits from retail customers, and wholesale deposits.

The table below presents a summary of the firm's NCOs related to our unsecured borrowing and lending activity, calculated in accordance with the LCR Rule.

Table 4: Unsecured Net Cash Outflows

Three Months

Ended June 2020

Average

Average

$ in millions

Unweighted

Weighted

Outflows

Deposit outflow from retail customers and

$196,538

$36,644

counterparties, of which:

Stable retail deposit outflow

13,750

412

Other retail funding outflow

82,536

11,131

Brokered deposit outflow

100,252

25,101

Unsecured wholesale funding outflow, of which:

72,143

50,446

Operational deposit outflow

103

26

Non-operational funding outflow

65,420

43,800

Unsecured debt outflow

6,620

6,620

Other contingent funding obligations outflow

239,593

8,275

Inflows

Retail cash inflow

285

142

Unsecured wholesale cash inflow

10,708

9,282

Net unsecured cash outflows/(inflows)1

$497,281

$85,941

1. Net unsecured cash outflows/(inflows) reflects the subtraction of the inflow amounts from the outflow amounts shown in the table above and is included for illustrative purposes.

Secured Net Cash Outflows

We fund a significant amount of inventory and a portion of investments on a secured basis, including repurchase agreements, securities loaned and other secured financings. In addition, we provide financing to our clients for their securities trading activities, prime brokerage services and other equities financing activities.

The LCR Rule considers outflows and inflows related to secured funding and securities services together as part of "Secured wholesale funding and asset exchange outflow" and "Secured lending and asset exchange inflow" (see Table 5).

June 2020 | LCR Disclosure 4

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Specifically, under the LCR Rule, secured funding transactions include repurchase agreements, Federal Home Loan Bank advances, collateralized deposits, securities lending transactions, including loans of collateral to effect customer short sales, and other secured wholesale funding arrangements. Secured lending transactions, as defined under the LCR Rule, include resale agreements, margin loans and securities borrowing transactions.

The standardized stress scenario prescribed in the LCR Rule applies outflow and inflow rates between 0-100% to secured funding and lending transactions. Specific outflow and inflow rates are based on factors such as the quality of the underlying collateral, as well as the type, tenor and counterparty of a transaction.

The LCR Rule allows a firm to recognize inflows from the release of segregated customer assets as prime brokerage transactions unwind in times of stress. These inflows are reflected in "Broker-dealer segregated account inflow" (see Table 5).

The table below presents a summary of the firm's NCOs related to our secured funding and lending activity, calculated in accordance with the LCR Rule.

Table 5: Secured Net Cash Outflows

Three Months

Ended June 2020

Average

Average

$ in millions

Unweighted

Weighted

Outflows

Secured wholesale funding and asset exchange

$346,926

$144,914

outflow

Inflows

Secured lending and asset exchange inflow

382,159

117,894

Securities cash inflow

395

395

Broker-dealer segregated account inflow

36,145

36,145

Net secured cash outflows/(inflows)1

($71,773)

($9,520)

1. Net secured cash outflows/(inflows) reflects the subtraction of the inflow amounts from the outflow amount shown in the table above and is included for illustrative purposes.

Derivatives

Overview

Derivatives are instruments that derive their value from underlying asset prices, indices, reference rates and other inputs, or a combination of these factors. Derivatives may be traded on an exchange or they may be privately negotiated contracts, which are usually referred to as OTC derivatives. Certain of the firm's OTC derivatives are cleared and settled through central clearing counterparties, while others are bilateral contracts between two counterparties.

Market Making. As a market maker, the firm enters into derivative transactions to provide liquidity to clients and to facilitate the transfer and hedging of their risks. In this role, the firm typically acts as principal and is required to commit capital to provide execution, and maintains market-making positions in response to, or in anticipation of, client demand.

Risk Management. The firm also enters into derivatives to actively manage risk exposures that arise from its market- making and investing and financing activities. The firm's holdings and exposures are hedged, in many cases, on either a portfolio or risk-specific basis, as opposed to an instrument- by-instrument basis. In addition, the firm may enter into derivatives that are used to manage interest rate exposure in certain fixed-rate unsecured long- and short-term borrowings, and deposits, and to manage foreign currency exposure on the net investment in certain non-U.S. operations.

The firm enters into various types of derivatives, including futures, forwards, swaps and options.

For information about our derivative exposures and hedging activities, see "Note 7. Derivatives and Hedging Activities" in Part I, Item 1 "Financial Statements (Unaudited)" in our Quarterly Report on Form 10-Q.

June 2020 | LCR Disclosure 5

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Derivative Net Cash Outflows

The LCR Rule requires that derivative NCOs reflect outflows and inflows resulting from contractual settlements related to derivative transactions occurring over a 30 calendar-day period. These outflows and inflows can generally be netted at a counterparty level if subject to a valid qualifying master netting agreement. In addition, the LCR Rule requires that NCOs reflect certain contingent outflows related to a firm's derivative positions that may arise during a 30 calendar-day stress scenario, including:

  • Incremental collateral required as a result of a change in a firm's financial condition;
  • Legal right of substitution of collateral posted to a firm for less liquid or non-HQLA collateral;
  • Collateral required as a result of market movements. The LCR Rule requires that a firm reflects in its NCOs calculation the absolute value of the largest net cumulative collateral outflow or inflow in a 30 calendar-day period over the last two years; and
  • Excess collateral greater than the current collateral requirement under the governing contract that a firm may be contractually required to return to a counterparty.

The table below presents a summary of the firm's derivative NCOs, calculated in accordance with the LCR Rule.

Table 6: Derivative Net Cash Outflows

Three Months

Ended June 2020

Average

Average

$ in millions

Unweighted

Weighted

Outflows

Outflows related to derivative exposures and

$46,297

$43,812

other collateral requirements

Inflows

Net derivative cash inflow

12,319

12,319

Net derivative cash outflows/(inflows)1

$33,978

$31,493

1. Net derivative cash outflows/(inflows) reflects the subtraction of the inflow amount from the outflow amount shown in the table above and is included for illustrative purposes.

In the table above, "Outflows related to derivative exposures and other collateral requirements" reflects contractual derivative settlements, as well as contingent derivative outflows, calculated in accordance with the LCR Rule. "Net derivative cash inflow" reflects contractual derivative settlements. The LCR Rule does not recognize contingent derivative inflows.

Unfunded Commitments

Overview

Our commercial lending activities include lending to investment-grade and non-investment-grade corporate borrowers. Such commitments include commitments related to relationship lending activities (principally used for operating and general corporate purposes) and related to other investment banking activities (generally extended for contingent acquisition financing and are often intended to be short-term in nature, as borrowers often seek to replace them with other funding sources). The firm also extends lending commitments in connection with other types of corporate lending, commercial real estate financing and retail lending.

In addition, the firm provides financing to clients who warehouse financial assets. These arrangements are secured by the warehoused assets, primarily consisting of residential real estate, consumer and corporate loans.

Unfunded Commitments Net Cash Outflows

The LCR Rule applies outflow rates to the undrawn portion of committed credit and liquidity facilities that a firm has extended based on counterparty type and purpose. The undrawn portion is defined as the amount of the facility that could be drawn upon within 30 calendar days under the governing agreement, less the fair value of any Level 1 or Level 2A liquid assets that serve as collateral, after recognizing the applicable haircut for those assets. Commitments extended to retail counterparties are prescribed an outflow rate of 5-10%,non-financial sector entities an outflow rate of 10-30%, financial sector entities an outflow rate of 40-100% and all others an outflow rate of 100%.

The table below presents a summary of the firm's NCOs related to our unfunded commitments, calculated in accordance with the LCR Rule.

Table 7: Unfunded Commitments Net Cash Outflows

Three Months

Ended June 2020

Average

Average

$ in millions

Unweighted

Weighted

Outflow related to credit and liquidity facilities

including unconsolidated structured

$130,693

$36,783

transactions and mortgage commitments

June 2020 | LCR Disclosure 6

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Table 8: Liquidity Coverage Ratio Summary

Three Months

Ended June 20201

Average

Average

$ in millions

Unweighted

Weighted

High-Quality Liquid Assets:

Total high-quality liquid assets (HQLA)

$286,134

$283,483

High-Quality Liquid Assets:

1

Total eligible high-quality liquid assets (HQLA), of which:2

$211,459

$211,255

2

Eligible level 1 liquid assets

210,429

210,429

3

Eligible level 2A liquid assets

889

756

4

Eligible level 2B liquid assets

141

70

Cash Outflow Amounts:

5

Deposit outflow from retail customers and counterparties, of which:

$196,538

$36,644

6

Stable retail deposit outflow

13,750

412

7

Other retail funding outflow

82,536

11,131

8

Brokered deposit outflow

100,252

25,101

9

Unsecured wholesale funding outflow, of which:

72,143

50,446

10

Operational deposit outflow

103

26

11

Non-operational funding outflow

65,420

43,800

12

Unsecured debt outflow

6,620

6,620

13

Secured wholesale funding and asset exchange outflow

346,926

144,914

14

Additional outflow requirements, of which:

176,990

80,595

15

Outflow related to derivative exposures and other collateral requirements

46,297

43,812

Outflow related to credit and liquidity facilities including unconsolidated structured transactions and mortgage

130,693

36,783

16

commitments

17

Other contractual funding obligation outflow

646

646

18

Other contingent funding obligations outflow

239,593

8,275

19

Total cash outflow

$1,032,836

$321,520

Cash Inflow Amounts:

20

Secured lending and asset exchange cash inflow

$382,159

$117,894

21

Retail cash inflow

285

142

22

Unsecured wholesale cash inflow

10,708

9,282

23

Other cash inflows, of which:

48,859

48,859

24

Net derivative cash inflow

12,319

12,319

25

Securities cash inflow

395

395

26

Broker-dealer segregated account inflow

36,145

36,145

27

Other cash inflow

0

0

28

Total cash inflow

$442,011

$176,177

Average

Amount3

29

HQLA amount

$211,255

30

Total net cash outflow amount excluding the maturity mismatch add-on

145,343

31

Maturity mismatch add-on

1,471

32

Total net cash outflow amount

$146,814

33

Liquidity coverage ratio (%)

144%

  1. Period beginning April 1, 2020 and ending June 30, 2020.
  2. Eligible HQLA excludes certain HQLA held at subsidiaries after accounting for the LCR Rule's restrictions related to the transferability of HQLA across subsidiaries.
  3. The amounts reported in this column may not equal the calculation of those amounts using component amounts reported in rows 1-28 due to technical factors, such as the application of the Level 2 liquid asset caps and the total inflow cap.

June 2020 | LCR Disclosure 7

THE GOLDMAN SACHS GROUP, INC.

Liquidity Coverage Ratio Disclosure

Cautionary Note on Forward-Looking Statements

We have included in these disclosures, and our management may make, statements that may constitute "forward-looking statements" within the meaning of the safe harbor provisions of the U.S. Private Securities Litigation Reform Act of 1995. Forward-looking statements are not historical facts or statements of current conditions, but instead represent only our beliefs regarding future events, many of which, by their nature, are inherently uncertain and outside our control.

These statements may relate to, among other things, (i) our future plans and results, (ii) the objectives and effectiveness of our liquidity and funding policies, (iii) trends in or growth opportunities for our businesses, including the timing and benefits of business and strategic initiatives, (iv) stressed outflows and inflows as reported in our NCOs and our primary sources of funding, and (v) the effect of changes to the regulations applicable to us, as well as our future status, activities or reporting under U.S. or non-U.S. banking and financial regulation.

It is possible that our actual cash outflows and inflows in a stressed environment, liquidity sources, contingent commitments, exposures, results and financial condition may differ, possibly materially, from the reported outflows and inflows, liquidity sources, contingent commitments, exposures, results and financial condition indicated in these forward-looking statements. Important factors that could cause our actual outflows and inflows, liquidity sources, contingent commitments, exposures, results and financial condition to differ from those indicated in these statements include, among others, those discussed in "Risk Factors" in Part II, Item 1A in our Quarterly Report on Form 10-Q for the quarter ended June 30, 2020 and in Part I, Item 1A in our Annual Report on Form 10-K for the year ended December 31, 2019.

June 2020 | LCR Disclosure 8

Attachments

  • Original document
  • Permalink

Disclaimer

The Goldman Sachs Group Inc. published this content on 10 August 2020 and is solely responsible for the information contained therein. Distributed by Public, unedited and unaltered, on 10 August 2020 20:33:19 UTC